Florida Stay at Home Order: What Florida Businesses Need to Know

April 2, 2020

Share

On April 1, 2020, Governor Ron DeSantis issued Executive Order Number 20-91 in response to the COVID-19 pandemic, requiring all persons in Florida to limit their movements and personal interactions outside of their homes to only those necessary to obtain or provide "essential services" or conduct "essential activities." The order is effective as of 12:01 AM on Friday, April 3, 2020 and is intended to minimize person-to-person transmission of COVID-19 in Florida via social distancing measures and encourages Florida individuals to work from home. While "essential activities" primarily relate to personal activities, such as attending religious services, participating in recreational activities (provided they are conducted within social distancing guidelines) such as walking, biking, hiking, fishing, hunting, running, or swimming, caring for pets, and caring for or otherwise assisting a loved one or friend, the term "essential services" pertains to business services.

To best assess the impact on business operations, Florida businesses should consider carefully reviewing the order, and any prior orders or documents referenced within the order and modify their business operations accordingly. Key provisions of the order are summarized below to aid in such business assessments. To the extent a local official action or order is less restrictive, the Governor's Order prevails, but local governments can still impose restrictions that go beyond the state-wide mandate. Accordingly, in conducting their assessments, businesses should also consider restrictions imposed by local government jurisdictions to which they are subject.

The order defines "essential services" as the list identified in the Department of Homeland Security's Cybersecurity and Infrastructure Security Agency's (CISA) Guidance on the Essential Critical Infrastructure Workforce, dated March 28, 2020, or as subsequently amended. The CISA Guidance provides broad listings of critical services within the following critical sectors:

Law Enforcement, Public Safety and other First Responders
Examples include front line staff and management in emergency management, law enforcement, fire and rescue services, emergency medical services and private security.

Other Community or Government-Based Operations and Essential Functions
Examples include key community and government functions including local governments, elections, judiciary, trade, weather forecasting, education and news media.

Critical Manufacturing
Examples include manufacture of metals, industrial minerals, materials for the medical supply chain, mining and production of critical minerals and materials, and essentials services and equipment supporting the remote workforce.

Residential/Shelter Facilities and Services
Examples include food, shelter, and social services for the needy, property management, housing construction and leasing.

Hygiene Products and Services
Examples include production of hygiene products, laundry services, personal and household good repairs, disinfection services, and water and space heating equipment.

The order also makes reference to other essential services and activities listed in the Governor's earlier Executive Order 20-89, incorporating a list of such services and activities identified by Miami-Dade County, which includes:

Contractors and other tradesmen, appliance repair personnel and exterminators;

Private colleges and trade schools, but only as needed to facilitate online or distance learning;

Home-based care for seniors, adults or children; and

Professional services, including legal or accounting services, when necessary to assist in compliance with legally mandated activities.

In addition to conducting an assessment on whether their services are considered essential services, those Florida businesses that determine they meet the above criteria will also have to identify, assess and implement any public safety modifications to business activities, such as social distancing and handwashing measures, in accordance with earlier executive orders in Florida. To the extent a local official action or order is less restrictive, the Governor's order prevails, but local governments can still impose restrictions that go beyond the state-wide mandate. Accordingly, in conducting their assessments, businesses should also consider restrictions imposed by local government jurisdictions to which they are subject.

Email Disclaimer

NOTICE: The mailing of this email is not intended to create, and receipt of it does not constitute an attorney-client relationship. Anything that you send to anyone at our Firm will not be confidential or privileged unless we have agreed to represent you. If you send this email, you confirm that you have read and understand this notice.